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Re-opening of assessments u/s 147 - beyond four years but within six years - There is no warrant to extend the period by two years, again as provided under Section 153, since on facts it cannot be said that the grant of exemption was in the absence of full and true disclosure by the assessee - HC

Income Tax - Re-opening of assessments u/s 147 - beyond four years but within six years - There is no warrant to extend .....

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